SH. WAJID ALI versus SECRETARY, REVENUE DIVISION, ISLAMABAD
Sections 59 and 61 of the Self Assessment Scheme Year 2002 2003, paragraphs 7 and 9 (ii) constitute the office of the Federal Tax Ombudsman Ordinance (XXV of 2000), notice issued under Sections 9 and 11 of 61 of the Income Tax Ordinance 1979 The information determined after the selection of the complainant for the return of the complainant through audit without any balloting was put into the return ballotting only after fulfilling the prescribed requirements for the Self Assessment Scheme. Were enabled, the complainant's return was clearly fed to the computer. Pointed out that it was lacking a short document, there was no reason why a return for the ballot was sent, if it did not qualify for the Self Assessment Scheme under paragraph 7, and then when Para. Is not eligible for the Self Assessment Scheme. Why 7, then the show cause notice was issued under paragraph 9 (ii) of his department, so that in order to cover such defects, an attempt was made to return to paragraphs 7 (ii) and 7 (iv) Self Assessment. The scheme, which would be similar to corruption, the Federal Tax Ombudsman recommended to the Revenue to withdraw the proposal and accept the return of the complainant filed under the Self Assessment Scheme for the year 2002 2003. \ r \ n
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